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`Case 2:22-cv-00828-CDS-BNW Document 54 Filed 10/14/22 Page 1 of 4Case 2:22-cv-00828-CDS-BNW Document 57 Filed 10/17/22 Page 1 of 4
`
`Joseph R. Ganley (5643)
`Brenoch R. Wirthlin (10282)
`HUTCHISON & STEFFEN, PLLC
`Peccole Professional Park
`10080 West Alta Drive, Suite 200
`Las Vegas, Nevada 89145
`Telephone: (702) 385-2500
`Facsimile: (702) 385-2086
`jganley@hutchlegal.com
`bwirthlin@hutchlegal.com
`
`Edward R. Nelson III (Admitted pro hac vice)
`Christopher G. Granaghan (Admitted pro hac vice)
`John P. Murphy (Admitted pro hac vice)
`Carder W. Brooks (Admitted pro hac vice)
`NELSON BUMGARDNER CONROY PC
`3131 West 7th Street, Suite 300
`Fort Worth, TX 76107
`Telephone: (817) 377-9111
`ed@nelbum.com
`chris@nelbum.com
`murphy@nelbum.com
`carder@nelbum.com
`
`Attorneys for Defendant R2 Solutions LLC
`
`UNITED STATES DISTRICT COURT
`DISTRICT OF NEVADA
`
`ALLEGIANT TRAVEL COMPANY,
`
`Case No. 2:22-cv-00828-CDS-BNW
`
`Plaintiff,
`
`v.
`
`R2 SOLUTIONS LLC,
`
`Defendant.
`
`UNOPPOSED MOTION TO EXTEND R2
`SOLUTIONS LLC’S TIME
`TO SERVE ITS DISCLOSURE OF
`ASSERTED CLAIMS AND
`INFRINGEMENT CONTENTIONS AND
`RESPONSES TO PLAINTIFF’S NON-
`INFRINGEMENT CONTENTIONS
`
`(First Request)
`
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`

`

`
`
`Case 2:22-cv-00828-CDS-BNW Document 54 Filed 10/14/22 Page 2 of 4Case 2:22-cv-00828-CDS-BNW Document 57 Filed 10/17/22 Page 2 of 4
`
`Defendant R2 Solutions LLC (“Defendant”) brings this unopposed motion to extend the
`time for it to serve its Disclosure of Asserted Claims and Infringement Contentions and responses
`to Plaintiff Allegiant Travel Company’s (“Plaintiff”) non-infringement contentions. To this end,
`Defendant requests, and Plaintiff does not oppose, an extension of seven (7) days to and including
`October 25, 2022 to do so. Pursuant to LR IA 6-1, this is the first request to extend the time to
`serve Defendant’s Disclosure of Asserted Claims and Infringement Contentions and responses to
`Plaintiff’s non-infringement contentions.
`This request is not made for the purpose of delay. R2 previously filed a motion to stay
`discovery pending resolution of its motion to dismiss, which, if granted, would have stayed the
`deadline for R2 to serve its Disclosure of Asserted Claims and Infringement Contentions and
`responses to Plaintiff’s non-infringement contentions. The Magistrate Judge denied R2’s motion
`to stay on October 13, 2022, five days before R2’s current deadline. Patent cases are complex.
`This case involves seven distinct patents, at least three of which have not been litigated in prior
`patent infringement litigation brought by Defendant in the United States District Court for the
`Eastern District of Texas. As such, there is much for Defendant’s counsel to investigate, analyze,
`collect, and consider in creating and preparing Defendant’s Disclosure of Asserted Claims and
`Infringement Contentions and responses to Plaintiff’s non-infringement contentions. In light of the
`short amount of time between the Magistrate Judge’s denial of R2’s motion to stay and R2’s
`deadline, and the amount of work involved with preparing infringement contentions, R2
`respectfully submits that there is good cause for the requested extension. Defendant has conferred
`with counsel for Plaintiff, and Plaintiff does not oppose the requested extension.
`/ / /
`
`/ / /
`
`/ / /
`
`/ / /
`
`2
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`

`

`
`
`Case 2:22-cv-00828-CDS-BNW Document 54 Filed 10/14/22 Page 3 of 4Case 2:22-cv-00828-CDS-BNW Document 57 Filed 10/17/22 Page 3 of 4
`
`For the foregoing reasons, Defendant respectfully asks that the Court grant this unopposed
`
`motion re-setting Defendant’s deadline to serve its Disclosure of Asserted Claims and
`
`Infringement Contentions and responses to Plaintiff’s non-infringement contentions to October 25,
`
`2022.
`
`Dated this 14th day of October, 2022.
`
`HUTCHISON & STEFFEN, PLLC
`
`/s/ Brenoch Wirthlin
`______________________________
`Joseph R. Ganley (5643)
`Brenoch R. Wirthlin (10282)
`Peccole Professional Park
`10080 West Alta Drive, Suite 200
`Las Vegas, Nevada 89145
`jganley@hutchlegal.com
`bwirthlin@hutchlegal.com
`
`Ed Nelson, III (Admitted pro hac vice)
`Christopher G. Granaghan (Admitted pro hac
`vice)
`John P. Murphy (Admitted pro hac vice)
`Carder W. Brooks (Admitted pro hac vice)
`Nelson Bumgardner Conroy PC
`3131 West 7th Street, Suite 300
`Fort Worth, Texas 76107
`ed@nelbum.com
`chris@nelbum.com
`john@nelbum.com
`carder@nelbum.com
`
`Attorneys for Defendant
`R2 Solutions LLC
`
`IT IS SO ORDERED.
`
`____________________________________
`UNITED STATES MAGISTRATE JUDGE
`
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`ORDER
`
`IT IS SO ORDERED
`DATED:
`
`
`BRENDA WEKSLER
`UNITED STATES MAGISTRATE JUDGE
`
`2:58 pm, October 17, 2022
`
`

`

`
`
`Case 2:22-cv-00828-CDS-BNW Document 54 Filed 10/14/22 Page 4 of 4Case 2:22-cv-00828-CDS-BNW Document 57 Filed 10/17/22 Page 4 of 4
`
`CERTIFICATE OF SERVICE
`
`I hereby certify that on the 14th day of October, 2022, I caused a true and correct copy of
`
`the foregoing UNOPPOSED MOTION TO EXTEND R2 SOLUTIONS LLC’S TIME
`
`TO SERVE ITS DISCLOSURE OF ASSERTED CLAIMS AND INFRINGEMENT
`
`CONTENTIONS AND RESPONSES TO PLAINTIFF’S NON-INFRINGEMENT
`
`CONTENTIONS to be submitted electronically for filing and service with the United States
`
`District Court for the District of Nevada via the Electronic Filing System to the following:
`
`Patrick H. Hicks (4632)
`Kelsey E. Stegall (14279)
`LITTLER MENDELSON, P.C.
`3960 Howard Hughes Parkway, #300
`Las Vegas, Nevada 89169
`phicks@littler.com
`kstegall@littler.com
`
`Michael A. Oblon
`JONES DAY
`51 Louisiana Avenue, N.W.
`Washington, D.C. 20001
`moblon@jonesday.com
`
`Keith Davis
`JONES DAY
`2727 North Harwood
`Dallas, Texas 75201
`kbdavis@jonesday.com
`
`H. Albert Liou
`JONES DAY
`717 Texas Avenue, Suite 3300
`Houston, Texas 77002
`aliou@jonesday.com
`
`Attorneys for plaintiff
`Allegiant Travel Company
`
`/s/ Danielle Kelley
`____________________________________
`An employee of Hutchison & Steffen, PLLC
`
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`

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